UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS ... · PDF fileNORTHERN DISTRICT OF...
Transcript of UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS ... · PDF fileNORTHERN DISTRICT OF...
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UNITED STATES DISTRICT COURTNORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION______________________________________________________________________________
ANNABEL K. MELONGO, ))
Plaintiff, )) SECOND AMENDED ) COMPLAINT AND JURY ) TRIAL DEMAND
v. ))) 13-cv-04924
ASA ROBERT PODLASEK; ASA JULIE ) GUNNIGLE; INVESTIGATOR KATE )OHARA (Star No. 423); INVESTIGATOR )JAMES DILLON (Star No. 1068); )INVESTIGATOR ANTONIO RUBINO (Star )No. 5043); INVESTIGATOR RICH LESIAK )(Star No. 5000); UNKNOWN COOK COUNTY )SHERIFF OFFICERS; DR. MATTHEW S. )MARKOS; ASST. ATTY. GENERAL KYLE )FRENCH; COOK COUNTY SHERIFF ) THOMAS DART; COOK COUNTY )COOK COUNTY; INVESTIGATOR RANDY )ROBERTS; SCHILLER PARK DET. )WILLIAM MARTIN; VILLAGE OF )SCHILLER PARK; CAROL SPIZZIRRI. )
)Defendants. )
______________________________________________________________________________NOW COMES Plaintiff, ANNABEL K. MELONGO, by and through her attorney,
JENNIFER BONJEAN of the BONJEAN LAW GROUP, PLLC, and for cause of action
against the defendants, both jointly and severally, respectfully states as follows:
INTRODUCTION
1. Eight years ago, Plaintiff was arrested and charged with computer tampering
based on the unsupported, false allegations of her former employer, Defendant Carol Spizzirri,
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2. Defendant Spizzirri was the Founder and President of a now defunct non-profit
organization known as Save a Life Foundation (SALF). Defendant Spizzirri held herself out as
a certified nurse who began SALF after she lost her daughter in a fatal hit and run car accident.
Defendant Spizzirri claimed that her daughters life would have been saved had she received
prompt emergency first aid at the scene of the accident. Based on this story, Defendant Spizzirri
created SALF with a purported mission of training emergency responders in life supporting first
aid.
3. In and around Spring, 2006, Defendant Spizzirri and SALF came under scrutiny
for its questionable financial activities. Spizzirri was exposed as a serial fabricator who lied
about her credentials (she is not a certified nurse) and the underlying facts of her daughters death
(her daughter crashed her own car while under the influence of alcohol and did not die as a result
of not receiving first aid emergency care). Critically, serious questions were raised regarding
SALFs use of nearly $9 million of state and federal funding.
4. Around that time, SALFs computer servers crashed, allegedly deleting hundreds
of financial records. Defendant Spizzirri falsely accused Plaintiff, her former employee, of
causing the deletion of SALFs financial records. On information and belief, Defendant Spizzirri
herself was responsible for SALFs computer crash and the resulting destruction of financial
records.
5. Defendant Spizzirri used her influence and power with Illinois politicians,
including Former Cook County States Attorney Dick Devine to embark on a witch hunt of
Plaintiff and frame Plaintiff for computer tampering.
6. Defendants Roberts, Martin, and French conducted no meaningful investigation,
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of Spizzirris claims, ignored exculpatory evidence, and falsely charged and prosecuted Plaintiff
for the offense of computer tampering.
7. On July 29, 2014, Plaintiff was exonerated of all computer tampering charges.
8. On April 13, 2010, while Plaintiffs computer tampering charges pended in the
Circuit Court of Cook County, Plaintiff was arrested again without probable cause for violating
the Illinois Eavesdropping Statute, recently struck down as unconstitutional by the Illinois
Supreme Court, People v. Melongo, 2014 IL 114852 (March 20, 2014). See also, ACLU of
Illinois v. Anita Alvarez, 679 F. 3d 583 (7th Cir. 2012).
9. Plaintiff was accused of secretly recording three separate telephone conversations
she had with Pamela Taylor, a supervisor in the Official Court Reporters office of the Circuit
Court of Cook County, Criminal Division and posting those conversations to her website
www.illinoiscorruption.net
10. At that time, Plaintiffs website www.illinoiscorruption.net chronicled her efforts
to defend against criminal charges of computer tampering which she claimed were the product of
prosecutorial misconduct and political corruption. Plaintiffs stated purpose in maintaining her
website is to expose corruption in the Cook County criminal justice system.
11. Even though Defendants knew that Plaintiffs conduct of recording Taylor was
protected under a statutory exemption of the Illinois Eavesdropping statute, Defendants arrested,
detained, and later maliciously prosecuted Plaintiff for violating the Eavesdropping Statute.
Defendants did so to retaliate against Plaintiff for exercising her First Amendment rights to free
speech and freedom of press.
12. Plaintiffs charges for eavesdropping were dismissed in their entirety on July 26,
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http://www.illinoiscorruption.net,http://www.illinoiscorruption.net
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2012. However, Plaintiff was incarcerated at the Cook County Jail for 20 months as a result of
the eavesdropping charges and spent an additional six (6) months on house arrest before the
dismissal of the charges.
13. After eight years, 20 months of incarceration, two trials, and an appeal, Plaintiff
has been vindicated of all wrongdoing.
PARTIES
14. Plaintiff Annabel Melongo is an adult resident citizen of Cook County, Illinois
15. On information and belief Defendant Robert Podlasek is an adult resident of Cook
County, Illinois. At all times material hereto, Defendant Podlasek was a duly appointed Assistant
Cook County States Attorney and was acting under the color of state law. Podlasek is sued
individually and in his official capacity as a, Assistant Cook County States Attorney.
16. On information and belief Defendant Julie Gunnigle is an adult resident of Cook
County, Illinois. At all times material hereto, Defendant Gunnigle was a duly appointed Assistant
Cook County States Attorney and was acting under the color of state law. Gunnigle is sued
individually and in her official capacity as an Assistant Cook County States Attorney.
17. On information and belief Defendants Dillon, Rubino, and Lesiak (and unknown
Cook County sheriff officers) are adult residents of Cook County, Illinois. At all times material
hereto, Defendants Dillon, Rubino, and Lesiak were duly appointed members of the Cook
County Sheriffs Department and were acting by virtue of their position as a law enforcement
officer and under color of state law. They are sued in their individual and official capacities as
officer of the Cook County Sheriffs Department.
18. On information and belief, Defendant Kyle French is an adult resident of
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Anchorage, Alaska. At all times material hereto, Defendant French was a duly appointed
Assistant Illinois Attorney General and was acting under color of state law. French is sued
individually and in his official capacity as an Assistant Illinois Attorney General.
19. On information and belief, Dr. Matthew S. Markos is an adult resident of Cook
County, Illinois. At all times material hereto, Dr. Markos was the director of Forensic Clinical
Services and was acting in a law enforcement capacity and under color of state law. Markos is
sued individually and in his official capacity.
20. Cook County Sheriff, Thomas Dart, was elected Sheriff of Cook County and was
responsible for the day to day operation of the Cook County Jail, including his employees. Dart
in his capacity as Cook County Sheriff existed as such under the laws of the State of Illinois and
the United States.
21. Cook County is a municipality chartered by the State of Illinois and as such is a
political subdivision of the State of Illinois and among its other functions operates and maintains
a law enforcement agency known as the Cook County Sheriffs Department. Cook County is
under a duty to run its policing activities in a lawful manner so as to preserve the rights,
privileges, and immunities guaranteed and secured to them by the constitutions and laws of the
United States and the State of Illinois.
22. On information and belief, Defendant Roberts is an adult resident of Cook
County, Illinois. At all times material hereto, Defendant Roberts was a duly appointed member of
the Cook County States Attorneys office and was acting by virtue of his position as a law
enforcement officer and under color of state law. He is sued in his individual and official
capacity as an investigator in the office of the Cook County States Attorney.
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23. Schiller Park Detective William Martin is an adult residence of Cook County,
Illinois. At all times material hereto, Defendant Martin was a duly appointed members of the
Schiller Park Police Department and was acting by virtue of his position as a law enforcement
officer and under color of state law. Defendant Martin is sued in